Couse No. 15EX9465
Offense Code No. : 099900262 eid ONE MILLION DOLLARS AND NO CENTS
Statute Citation: Penal Code 19.03(2)
WaRI ST OR CAPIAS-JP COURT
‘THE STATE OF TEXAS
To any Sheriff, Constable or Peace Officer of the State of Texas, Greeting:
You Are Hereby Commanded to arrest BILLY RAY MINKLEY JR, DL TX 09771236, DOB 11/24/1972, W
1M, to be found in your County and bring HIM_ before me, a Justice of the Peace in and for Precinct No.
1, Place No. 1 of Young County, Texas, at my office in Graham, Texas, in said Young County, immediately,
then and there to answer the State of Texas for an offense against the laws of said State, to-wit:
CAPITAL MURDER - 19.03/2) TEXAS PENAL CODE of which offense HE, BILLY RAY MINKLEY JR, is
accused by the written complaint, under oath, of TOBY CATLIN filed before me.
Herein Fail Not, but of this writ make due return, showing how you have executed the same.
Witness my official signature, this 21st day of September, 2015.
JUSTICE COURT
bo
YOUNG COUNTY, TEXAS
PRECINCT 4 Justice of the Peace, Pet. 1
‘Young County, Texas
CAME TO HAND onthe g/® day of__Srphaber 205, atZ/SS o'clock am.
and EXECUTED in ier County, Texas at 2icc_ o'clock @.107/ p.m. on the Z2day of
sane ¢ 20.5, by taking BILLY RAY MINKLEY JR. into custody and transporting the
person t ‘as commanded by Warrant.
The distance actually traveled by me in the execution of this process was _miles and my fees are
Sheriff / Deplity / Ofieer
Pct.No__,_You=g County, Texas
iFTHE PEACE:
Quy TSISEXO46S
PROBABLE CAUSE AFFIDAVIT / COMPLAINT
FOR ARREST
“In the name and by the authority of the State of Texas”
THE STATE OF TEXAS
COUNTY OF YOUNG
BEFORE ME, the undersigned authority, on this day personally appeared the
undersigned affiant who, after being duly swom by me, on oath stated:
Affiant is identified as Ranger Toby CATLIN with the Texas Rangers Division
of the Texas Department of Public Safety, herein after referred to as affiant.
Affiant has over thirteen (13) years experience in law enforcement
Atfiant has good reason to believe and does believe that on or about the 29th
day of May, 2015, and before the making and filing of thi intone
Billy Ray MINKLEY Jr. did then and there in Young County, Texas,
intentionally or knowingly cause the death of an individual, Leah Donnice
MARTIN, W/F, DOB 07/07/1992, by homicidal violence with asphyxia indicated
and the defendant was then and there in the course of committing or
attempting to commit the offense of kidnapping of Leah Donnice MARTIN.
The above described acts comprise the offense of Capital Murder, against
the laws of the State, a violation of section 19.03(2)Texas Penal Code, a
Capital Felony. Affiant's belief is based Upon the following facts and
information:
As for probable cause for the arrest of the defendant, your affiant would show
that on 05/30/2015, Graham Police Department began a missing person
investigation into the disappearance of Leah Donnice MARTIN, W/F, DOB
07/07/1992. On 05/31/2015, Sergeant Jeff SMITH, a detective with Graham
Police Department contacted your affiant and requested assistance with the
investigation.
Sergeant SMITH stated to your affiant that Leah MARTIN was last seen on
05/29/2015 at approximately 9:30PM. Sergeant SMITH told your affiant that
MARTIN’s vehicle was located on 05/30/2015 at EC’s Automotive in Graham,
Texas where MARTIN was employed. Sergeant SMITH stated MARTIN failed to
show up to work on 05/30/2015.
During the investigation, your affiant learned that Leah MARTIN was having a
relationship with Elton BLAIR Jr. Affiant also learned from Billy MARTIN that
Leah MARTIN had been receiving threatening phone calls from a blocked
number. Affiant was able to identify the subject making the threatening phone
calls to MARTIN. Affiant interviewed the subject making the threatening phone
calls and learned that Ross HELLAMS was paying the subject to make them,The subject also stated to your affiant that she was at the HELLAMS residence
on the weekend that MARTIN went missing and stated Ross HELLAMS was at
the shop 5/29/2015 around 9:30 PM. The subject stated that another man was
with HELLAMS when HELLAMS showed up to his residence in the early morning
hours on 05/30/2015.
Your affiant learned that the unidentified man with Ross HELLAMS gave the
female subject a ride home to Wichita Falls on 05/31/2015. Affiant learned that
before taking the female subject home, the unidentified man stopped at
Sutherland's in Wichita Falls, Texas. Your affiant was able to obtain surveillance
video from Sutherland's in Wichita Falls, Texas. Affiant identified the subject that
was with Ross HELLAMS on 05/29/2015 to be Billy MIKNLEY Jr. Affiant
recognized MINKLEY Jr. from a previous interview affiant had conducted with
MINKLEY Jr. Affiant also leamed from the female subject that Ross HELLAMS.
had an excavator on his property on the weekend MARTIN went missing.
On 08/05/2015, your affiant along with Graham Police Department executed a
search warrant on Ross HELLAMS property located at 5658 FM 209, Graham,
Texas. Your affiant and Graham Police Department located a clandestine grave
that contained human remains. Through DNA, affiant learned those remains
were that of Leah MARTIN. An autopsy done by the Tarrant County Medical
Examiner's office showed Leah Donnice MARTIN died from homicidal violence
with asphyxia indicted.
On 08/07/2015, your affiant and Sergeant SMITH learned that Billy MINKLEY Jr.
had rented an excavator from Mike West Side Rental in Graham, Texas on
05/30/2015.
On 09/08/2015, your affiant and Lieutenant Jim REEVES with Graham Police
Department interviewed Billy MINKLEY Jr. MINKLEY Jr. confessed to being
involved in the homicide of Leah MARTIN on 05/29/2015. MINKLEY Jr. provided
your affiant with details of the homicide of Leah MARTIN that would only be
known to a person who participated in the act. MINKLEY Jr. confessed to
disposing of MARTIN’s body. MINKLEY Jr. also implicated Ross HELLAMS and
Elton BLAIR Jr. as being involved in the homicide of Leah MARTIN on
05/29/2015.
Based on the above stated facts, your affiant alleges the defendant committed
the offense of Capital Murder, against the laws of the State.WHEREFORE, Affiant requests that an arrest warrant or capias be issued for the
above accused indi ) in accordance with the law.
SUBSCRIBED AND SWORN TO BEFORE ME on the 2/*" day of
September, 2015,
MAGISTRATE, IN AND FOR YOUNG COUNTY, TEXAS
OFFENSE CODE: 09990026
STATUTE CITATION: Penal Code 19.03(2) JUSTICE COURT
DEGREE OF FELONY: Capital Felony isd
Defendant: Billy Ray MINKLEY Jr, YOUNG COUNTY, TEXAS
Date Of Birth: 11/24/1972 PRECINCT 1
Drivers License #: 09771236
Race/Sex: White/Male
Other ID:
Bond Amount